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The United States
Drug Safety Paradigm
Stephen A. Goldman, M.D., FAPM, FAPA
Former Medical Director, MedWatch, FDA
Stephen A. Goldman Consulting Services, L.L.C.
Morris Plains, New Jersey, USA
[email protected]
sagcs 2005
©Stephen A. Goldman Consulting Services, LLC
2005
All rights reserved. No part of this presentation
may be reproduced in any material form without
the written permission of the copyright holder.
Evolution of FDA
Requirements/Initiatives
International Conference on Harmonization
(ICH) and related activities: 1990s to present
• 1999: “Managing the Risks from Medical Product Use”
– Report to FDA Commissioner from Task Force on Risk
Management
• 2000:
– ICH
• E2B
• Common Technical Document
– Medical Errors
• Institute of Medicine: “To Err is Human: Building a Safer Health
System” (1999)
sagcs 2005
Evolution of FDA
Requirements/Initiatives
FDA/ICH-related activities in 2000’s:
• 2001:
– Risk Issues (Communication)
– Medical Errors
• 2002:
– Office of Drug Safety
• 2003:
–
–
–
–
The “Tome”: Proposed Rule of March 14, 2003
Risk Management White Papers
E2D (step 4)
E2E (step 2)
sagcs 2005
Evolution of FDA
Requirements/Initiatives
FDA/ICH-related activities in 2000’s:
• 2004:
– Risk Management Draft Guidances (comment period ended
July 6, 2004)
– E2E (step 4)
• 2005:
– Final Risk Management Guidances issued (March 24, 2005)
– E2E Guidance issued (April 1, 2005)
– Proposed Rule becomes Final Rule??
sagcs 2005
Task Force on Risk Management
• Under FDA Commissioner Henney, Task Force
established to assess system for managing risks
associated with use of FDA-approved medical
products
– Particular focus on FDA’s role
• May 1999: Report to FDA Commissioner
– “Managing the Risks from Medical Product Use:
Creating a Risk Management Framework”1
1www.fda.gov/medwatch/articles.htm
sagcs 2005
Task Force on Risk
1
Management
• Evaluated risk management in entire healthcare
delivery system
• Applied risk management model utilized in other
government sectors
• Assessed FDA role
– Premarketing
– Postmarketing
• Examined all FDA risk management activities in
context of overall system
sagcs 2005
Task Force on Risk Management:
Findings1
• Time right for new systems framework
– Better risk understanding + more system integration =
more effective risk interventions
• Each participant’s role not clearly defined
• Engage stakeholders to assess current risk
management system
• Critical to understand types of risks and sources
sagcs 2005
Task Force on Risk Management:
Findings1
Medical product risks: 4 general categories
• Known side effects
– Most injuries and deaths
– Estimated more than 50% avoidable2
• Medication/device errors
– Also preventable
• Product defects
– Uncommon in U.S.
• Remaining uncertainties
2Bates
DW, Leape LL, Petrycki S. J Gen Intern Med 1993:8:289-294
sagcs 2005
Task Force on Risk Management:
Findings1
FDA’s current role in risk management
• Withdrawal rates and unexpected serious AEs
resulting in labeling changes remain low
• Several factors limit discovery of AEs in
premarketing
– Changes would increase costs and slow availability
• Postmarketing surveillance/risk assessment
performing as designed
sagcs 2005
Task Force on Risk Management:
Recommendations1
Most focused on ways to further improve risk
management within current system, including
• Professional education/core competency training for all
reviewers
• Integrate current postmarketing systems
– Uniform application of analytical tools, data entry and editing
– All information readily available to reviewer
• Intensify surveillance of newly marketed products
• Develop new methodologies for available datasets
• Meeting/series of meetings with stakeholders
sagcs 2005
Task Force on Risk Management:
1
Options
• Address limitations of premarketing study
– Large simple trials
– Restricted exposure early in postmarketing
• Design/implement supplemental ways to obtain
postmarketing data, e.g.,
– Sentinel sites
– Prospective registries
– Enhanced external database linkages
sagcs 2005
Rhode Island ADR Reporting
Project3
• Designed to increase physician reporting of
suspected ADRs via sustained education utilizing
several forms3
– After 2 years, > 17-fold increase in Rhode Island direct
reports vs yearly average prior to project (similar
increases not seen in overall U.S. rate)
– Similar trend seen regarding serious reports
• 1981 - 1985: 0.4% of total serious reports to FDA
• 1988: 3.6% of all serious direct reports to FDA
– 31 reports on unlabeled reactions through 1988
3Scott
HD, et al. JAMA 1990;263:1785-1788
sagcs 2005
Rhode Island ADR Reporting
Project3
• Pre- and post-intervention surveys found
significant gains in knowledge and attitude toward
ADR reporting system3
– Pre-intervention
• 55% familiar with FDA ADR reporting program
• 39% familiar with FDA forms/guidelines for reporting
– Post-intervention
• 85% familiar with FDA ADR reporting program
• 69% familiar with FDA forms/guidelines for reporting
sagcs 2005
MedSun: Medical Product
Surveillance Network4
• Pilot program begun in 2002
– Internet-based system designed to be easy/secure way
for user facilities to report serious medical device
problems mandated under Safe Medical Devices Act
• CDRH contracted CODA to manage program
• Designed to foster important partnership between
clinical sites and FDA
– Used to identify problems and work with manufacturer
to produce safer product
4www.medsun.net/about2.asp
sagcs 2005
MedSun4
• Serves as two-way communication route between CDRH
and clinical community
– Once problem identified, researchers work with each facility's
representatives to clarify situation/fully understand problem
– Reports later shared without facility identification with rest of
MedSun healthcare network so that clinicians can take
necessary preventative actions
• Currently ~ 280 hospitals/nursing homes participating,
including some of major US teaching hospitals
– Expected that 300+ healthcare facilities will participate in 2005
sagcs 2005
4
MedSun
Benefits of Participation
• Beyond helping ensure medical device safety:
– Educational Programs: at request of several sites, CODA and
FDA developed programs designed to encourage staff to report
device problems using internal reporting procedures
– Feedback: Facilities report greatest benefit of program is
feedback received
• Includes personal follow-up from MedSun staff members after report
filed, as well as information sharing among participating organizations
through monthly newsletter
– Contribution: being on forefront of new system designed to
yield significant information about medical device safety,
facility input is important contributor to system design
sagcs 2005
Task Force on Risk Management:
Options1
• Enhance FDA epidemiology/methodology
research
• Enhance FDA role/responsibilities in risk
communication
•  interventions for special risk products
– Restricted distribution
– Mandatory education (providers/patients)
• Legislative changes for risk intervention
– Suspension authority for drugs
sagcs 2005
Task Force on Risk
1
Management
• Shared responsibility for risk management
– FDA
– Manufacturers
– Health professionals
– Patients
– Other federal groups
– Healthcare delivery systems
– Professional societies
sagcs 2005
2002: Office of Post-marketing Drug Risk Assessment
(OPDRA) renamed Office of Drug Safety (ODS)5
• Division of Drug Risk Evaluation (DDRE)
– Safety evaluators detect/assess safety signals
• Work with Office of New Drugs medical reviewers to place in context
– Epidemiologists
• Review epidemiologic study protocols - required Phase 4 commitments
• Evaluate postmarketing surveillance tools - risk management strategies
• Estimate public health impact of safety signals (literature; databases)
• Division of Medication Errors and Technical Support
(DMETS)
– Pre-marketing review of proprietary names, labels and
labeling
– Post-marketing review/analysis of medication errors received
by CDER
5www.fda.gov/cder/Offices/ODS/divisions.htm
sagcs 2005
FDA Human Factors Program
What is Human Factors?6
• Human factors is study of how people use technology
– Involves interaction of human abilities, expectations, and
limitations with work environments and system design
• “Human factors engineering” (HFE): application of
human factors principles to device and systems design
– NB: often interchanged with such terms as “ergonomics”
• HFE goal: design devices users willingly accept and
operate safely in realistic conditions
– In medical applications, helps improve human performance and
reduce risks associated with use error
6www.fda.gov/cdrh/humanfactors/whatis.html
sagcs 2005
HFE6
• In many cases, focuses on device user interface
– Includes all components/accessories necessary to operate and
properly maintain device, including
• Controls, displays, software, logic of operation, labels and instructions
• Specific HFE benefits include:
– Reduced risk of device use error
– Better understanding of patient’s current medical condition
– Easier to use (or more intuitive) devices
• Should occur early in product development process, and
include tools such as
– Analysis of critical tasks, use error hazard and risk analysis,
and realistic use testing
sagcs 2005
FDA Office of Drug
5
Safety
Division of Surveillance, Research, and Communication
Support (DSRCS)
• Data resources
• Outcomes/effectiveness research components of drug
safety risk management programs
• Oversees
– MedWatch
– Risk communication research and activities, e.g.,
• Medications Guides
• Patient Packet Inserts
• Pharmacy information surveys
• International regulatory liaison activities for all drug/biologic
postmarketing safety issues
sagcs 2005
FDA Proposed Rule:
The “Tome”
“Safety Reporting Requirements for Human Drug
and Biological Products: Proposed Rule”
March 14, 2003
Federal Register Volume 68, No. 50, 12405-124977
– Comment period closed October 14, 2003
7www.fda.gov/OHRMS/DOCKETS/98fr/03-5204.pdf
sagcs 2005
FDA Proposed Rule:
Rationale7
• Harmonize with ICH and CIOMS standards
• Enhance “worldwide consistency” in safety data
collection and safety report submission
• Improve safety report quality
• Speed evaluation of important safety information
by Agency
• Protect/promote public health
sagcs 2005
FDA Proposed
7
Rule
• Premarketing Expedited Safety Reporting
Regulations (IND Safety Reports):
– 21 CFR 312.32 (investigational human drugs or
biological products)
• Postmarketing Safety Reporting Regulations:
– Drugs: 310.305 (marketed w/o approved NDA/ANDA)
314.80 (approved NDAs)
314.98 (approved ANDAs)
– Biological products: 600.80 (approved BLAs)
sagcs 2005
FDA Proposed
7
Rule
Drugs
“Associated with the use of the drug” and
“adverse drug experience” changed to
“suspected adverse drug reaction (SADR)”
Biologics
“Adverse experience” changed to “suspected
adverse reaction (SAR)”
sagcs 2005
FDA Proposed Rule7
SADR
“A noxious and unintended response to any dose of a
drug [‘biological’ for proposed 600.80(a)] product for
which there is a reasonable possibility that the product
caused the response. In this definition, the phrase ‘a
reasonable possibility’ means that the relationship
cannot be ruled out.”
sagcs 2005
FDA Proposed Rule:
7
SADR
• With respect to clinical studies of investigational and
marketed drugs/biologicals, proposed SADR definition
likely to result in  safety reporting to FDA from
some studies, as
– “Reasonable possibility” specifically defined
– Under proposed definition, AE seen as unlikely or remotely
related to study product would still need to be reported
(as opposed to typical interpretation of current regulatory
requirements)
sagcs 2005
FDA Proposed Rule:
7
SADR
• FDA recognize possibility of SADR “`over-reporting’” in
studies of patients with serious, potentially fatal diseases
(e.g., cancer)
– Any one report may not be informative due to possibility of AE
being secondary to disease itself
– Thus, FDA invites
• Proposals for alternative(s) ways to handle AE reporting in such cases
• Comments/suggestions on mechanisms to minimize “’over-reporting’”
of uninformative events while insuring reporting of relevant unexpected
events
sagcs 2005
FDA Proposed Rule:
7
312.32
Expedited Reporting: 15 calendar days
• Sponsor must notify FDA/all investigators of information that
“based on appropriate medical judgment, might materially
influence the benefit-risk assessment of an investigational drug or
that would be sufficient to consider changes in either product
administration or in the overall conduct of a clinical investigation”
– Significant unexpected in vitro, animal or human (clinical; epidemiological)
study safety findings or aggregate data from studies suggesting significant
risk to humans (e.g., mutagenicity, teratogenicity or carcinogenicity)
sagcs 2005
FDA Proposed Rule
[310.305, 314.80, 314.98, 600.80]7
Expedited Reporting: 15 calendar days
• “Always Expedited Reports”
– Specific SADRs, regardless of expectedness or seriousness, to
be reported on expedited basis due to medical gravity:
Congenital anomalies
Acute respiratory failure
Ventricular fibrillation
Torsades de pointe
Malignant hypertension
Seizure
Agranulocytosis
Aplastic anemia
Toxic epidermal necrolysisLiver necrosis
Acute liver failure
Anaphylaxis
Acute renal failure
Sclerosing syndromes
Pulmonary hypertension
Pulmonary fibrosis
sagcs 2005
FDA Proposed
7
Rule
Always Expedited Reports: 15 calendar days
• “Confirmed or suspected transmission of an infectious
agent by a marketed drug or biological product,”
• “Confirmed or suspected endotoxin shock,”
• “Any other medically significant SADR that FDA
determines to be the subject of an always expedited
report (i.e., may jeopardize the patient and/or require
medical or surgical intervention to treat the patient or
subject).”
sagcs 2005
FDA Proposed
7
Rule
Expedited Reporting: 15 calendar days
• Information sufficient to consider changes in
administration of product, based on appropriate medical
judgment
– Significant unexpected in vitro, animal or human (clinical;
epidemiological) study safety findings or aggregate data from
studies suggesting significant risk to humans (e.g.,
mutagenicity, teratogenicity or carcinogenicity)
sagcs 2005
FDA Proposed Rule
[310.305, 314.80, 314.98, 600.80]7
Expedited Reporting: 15 calendar days
• Medication errors (actual/potential) occurring in US
– Irrespective of whether actual error results in serious SADR,
nonserious SADR, or no SADR
• Includes “near misses” (medication errors that were prevented before
product was actually administered)
– Includes potential medication errors not involving a patient, but
include information/complaint about similarities in product
name, packaging or labeling
sagcs 2005
FDA Proposed Rule7
Full Data Set
• Completion of “all applicable elements” on 3500A or CIOMS 1
forms, “including a concise medical narrative of the case (i.e., an
accurate summary of the relevant data and information pertaining
to an SADR or medication error)”
Active Query
• Healthcare professional (anyone “with some form of health care
training”) representing manufacturer/ applicant required to speak
directly to initial SADR/ medication error reporter if outcome or
minimum data set not determinable on first receipt
– Entails “focused line of questioning” to ascertain “clinically relevant
information”
sagcs 2005
FDA Risk Management White
Papers
• June 12, 2002: Prescription Drug User Fee
Amendments of 2002 [Public Law 102-571]
(PDUFA III) signed
– In exchange for receipt of user fees under PDUFA III,
FDA agreed to specific performance goals, including
drafting industry guidance on risk management
activities
• FDA planned to finalize three guidance
documents for industry by September 30, 2004
sagcs 2005
FDA Risk Management White
Papers
• 2003: FDA drafted/released for comment three concept
papers that outlined Agency’s preliminary thinking on
– “Premarketing Risk Assessment”
– “Risk Management Programs”
– “Risk Assessment of Observational Data: Good
Pharmacovigilance Practices and Pharmacoepidemiologic
Assessment”*
• Public workshop held April 2003 (Washington, DC) to
present FDA’s thoughts/solicit input from stakeholder
groups
*www.fda.gov/cder/meeting/riskmanagement.htm
sagcs 2005
FDA Risk Minimization Guidances
• May 5, 2004: FDA released for comment three
draft guidances for industry:
– “Premarketing Risk Assessment”
– “Development and Use of Risk Minimization Action
Plans”
– “Good Pharmacovigilance Practices and
Pharmacoepidemiologic Assessment”*
• March 24, 2005: Final risk minimization
guidances issued**
*www.fda.gov/cder/guidance/index.htm
**www.fda.gov/bbs/topics/news/2005/NEW01169.html
sagcs 2005
“
Good Pharmacovigilance Practices and
Pharmacoepidemiologic Assessment8
Use of Data Mining to Identify Product-Event
Combinations
• Data mining may augment extant signal detection techniques
– Particular utility in pattern, time-trend and drug-drug interaction assessment
• NOT a tool for establishing causal attributions between products
and AEs
• “Use of data mining techniques is not a required part of signal
identification or evaluation. If data mining techniques are
submitted to FDA, they should be presented in the larger
appropriate clinical epidemiological context.”
8www.fda.gov/cder/guidance/6359OCC.pdf
sagcs 2005
Good PV Practices & PE Assessment8
Safety Signals That May Warrant Further Investigation
•
•
•
•
•
•
•
•
•
New unlabeled AEs (esp. serious)
Apparent increase in severity of labeled event
Occurrence of serious events thought extremely rare
New product-product/ product-device/product-food/product-dietary
supplement interactions
Identification of previously unrecognized at-risk population
Confusion about name, labeling, packaging, or use
Concerns arising from manner in which product used (e.g., AEs at
 labeled doses or in populations not recommended for tx)
Concerns arising from potential inadequacies of currently
implemented risk minimization action plan
Other concerns identified by sponsor or FDA
sagcs 2005
Good PV Practices and PE Assessment8
Investigating Signal through Observational
Studies
• Signals warranting additional investigation can be
evaluated through carefully designed observational
studies of product’s use in “`real world`”
– Pharmacoepidemiologic safety studies
– Registries
– Surveys
• FDA recommends sponsors choose most appropriate
method and encourages discussion of plans for studies
with agency
sagcs 2005
Good PV Practices and PE Assessment8
Interpreting Safety Signals:
From Signal to Potential Safety Risk
• When evaluation of safety signal suggests potential
safety risk, recommend sponsor submit synthesis of all
available safety information/analyses, including
– Spontaneously reported/published case reports
• Denominator or exposure information to assist interpretation
– Background event rate (general/specific populations) if known
– Relative risks/odds ratios/other association measures from
pharmacoepidemiologic studies
– Biologic effects seen in preclinical studies, PK or PD effects
– Safety findings from controlled clinical trials
– General marketing experience with similar products in class
sagcs 2005
Good PV Practices and PE Assessment8
For most products, routine PV (compliance with
postmarketing regulatory requirements) sufficient
• Unusual safety signals may become evident before
approval or in postmarketing - could suggest sponsor
consider enhanced PV efforts or PV plan may be
appropriate
• PV plan: developed to focus on detecting new safety
signals and/or evaluating identified safety signals
– Describes PV efforts beyond routine postmarketing
spontaneous reporting designed to enhance/hasten
sponsor’s acquisition of safety information
sagcs 2005
Development and Use of Risk
Minimization Action Plans9
• The Role of Risk Minimization and RiskMAPs [Risk
Minimization Action Plans] in Risk Management
– For majority of products, routine risk minimization measures
sufficient to minimize risks and preserve benefits
– Only a few products likely to merit consideration for additional
risk minimization efforts
• Relationship Between a Product’s Benefits and Risks
– Product considered safe if it has appropriate benefit-risk balance
for intended population and use
– Assessment/comparison of product’s benefits/risks complicated
process influenced by wide range of individualized patient
factors
9www.fda.gov/cder/guidance/6358fnl.pdf
sagcs 2005
Development and Use of RiskMAPs9
Determining an Appropriate Risk Minimization
Approach
• Routine risk minimization measures involve, for example, FDAapproved professional labeling periodically updated to incorporate
information from postmarketing surveillance or studies revealing
new benefits or risk concerns
– Efforts to improve FDA-approved professional labeling (viz, December
2000 Proposed Rule) reflect Agency’s belief that labeling is cornerstone of
risk management efforts for prescription drugs
• For most products, routine risk management will be sufficient and
RiskMAP need not be considered
sagcs 2005
Development and Use of RiskMAPs9
• Term tool as used means risk minimization action in
addition to routine risk minimization measures
– Process/system meant to minimize known risks
• Some may be incorporated into product’s FDA-approved
labeling, such as medication guides or patient package
inserts
– FDA-approved professional labeling refers to portion of
approved labeling directed to health care practitioners
sagcs 2005
Development and Use of RiskMAPs9
Tools For Achieving RiskMAP Goals and
Objectives
• Can communicate information regarding optimal use, and also
provide guidance on prescribing, dispensing, and/or using product
in most appropriate circumstances or patient populations
• Number of tools available - development of more tools encouraged
and anticipated by FDA
Categories of RiskMAP Tools
• Targeted Education and Outreach
• Reminder Systems
• Performance-Linked Access Systems
sagcs 2005
Development and Use of RiskMAPs9
Targeted Education and Outreach
• Examples of tools in category:
– Health care practitioner letters
– Training programs for health care practitioners or patients
– Continuing Education (CE) for health care practitioners
– Prominent professional or public notifications
– Patient labeling such as medication guides and patient package
inserts
– Focused or limited promotional techniques such as product
sampling or direct-to-consumer advertising
sagcs 2005
Development and Use of RiskMAPs9
Description of RiskMAP Tools
• Targeted Education and Outreach
– FDA recommends sponsors consider tools in category
• When risks cannot be minimized with routine measures alone, or
• As component of RiskMAPs using reminder or performance-linked
access systems
– Use specific, targeted education and outreach efforts to
increase appropriate knowledge of key people or groups (e.g.,
health professionals and consumers) with capacity to prevent
or mitigate product risks of concern
sagcs 2005
Development and Use of Risk
Minimization Action Plans
Reminder Systems
• FDA recommendation
– Use tools in reminder systems category in addition to targeted
education and outreach tools when latter insufficient to
minimize risks
• Tools in category include systems that prompt, remind,
double-check or otherwise guide health professionals
and/or patients in prescribing, dispensing, or receiving
product in ways that minimize risk
sagcs 2005
Development and Use of Risk
Minimization Action Plans
Reminder Systems
• Examples of tools in category:
– Patient education (acknowledgment and agreement forms)
– Healthcare provider training programs
• Testing or other documentation of physician knowledge/understanding
– Enrollment of physicians, pharmacies, and/or patients in
special data collection that reinforces appropriate use
– Limited # of doses in any single prescription or refill
– Specialized packaging to enhance safe use
– Specialized systems or records attesting to safety measures
having been satisfied (e.g., prescription stickers; physician
attestation of capabilities)
sagcs 2005
Development and Use of Risk
Minimization Action Plans
Performance-Linked Access Systems
• Include systems that link access to product to laboratory
testing results or other documentation
• FDA recommends tools in category be used when
– Products have significant or otherwise unique benefits in
particular patient group or condition, but unusual risks such as
irreversible disability or death also exist, and
– Routine risk minimization measures, targeted education and
outreach tools, and reminder systems insufficient to minimize
risks
sagcs 2005
Development and Use of Risk
Minimization Action Plans
Performance-Linked Access Systems
• Examples of tools in category include:
– Sponsor's use of compulsory reminder systems
– Prescription only by specially certified health care practitioners
– Dispensing only by pharmacies or practitioners that elect
special certification
– Dispensing only to patients with evidence or other
documentation of safe-use conditions (e.g., lab test results)
sagcs 2005
Development and Use of Risk
Minimization Action Plans
Selecting and Developing the Best Tools
• FDA recognizes once product out on market, health professionals
are most significant managers of its risks
• Agency believes that via FDA-approved professional labeling
information on safe and effective use for intended population and
use(s), FDA and sponsor encourage prescribing that yields
favorable benefit-risk balance
– However, FDA does not have authority to control prescribing decisions by
qualified health care practitioners, or to otherwise regulate medical or
surgical practice
sagcs 2005
Development and Use of Risk
Minimization Action Plans
Mechanisms Available to FDA to Minimize Risks
• FDA has variety of risk management measures at
disposal under FDCA and FDA regulations
• FDA must occasionally invoke other mechanisms to
minimize risks from medical products that pose serious
public health risks, including:
– FDA-requested product recalls, warning and untitled letters,
and import alerts
– Safety alerts, guidance documents, and regulations
– Judicial enforcement procedures such as seizures or injunctions
sagcs 2005
Goldman SA. Communication of medical
product risk: how effective is effective
enough? Drug Safety 2004;27:519-534
sagcs 2005
Critical Questions
• Labeling changes/large-scale health professional
notification: are they effective?
• Interventions to improve medication use: do they
actually result in modified behavior?
• Educational efforts regarding medical product
risk: do they make any difference?
sagcs 2005
Labeling Changes/Large-Scale
Health Professional Notification
Disparate Categories of Risk
• Drug-drug interactions (terfenadine; cisapride)
• Off-label use (bromfenac)
• Recommended blood test monitoring (troglitazone)
• Teratogenicity (acitretin)
sagcs 2005
Lessons Learned: Labeling Changes
and Large-Scale Notification (I)
• In choosing communication methods/assessing
effectiveness, major categor(ies) of perceived risk must
also be part of evaluative process
– Behaviors associated with each category of risk may well differ
- so may communication methods optimally utilized
– One size may NOT fit all
• Multiple modes of risk communication and maximal
publicity may well heighten effectiveness of overall
effort
sagcs 2005
Lessons Learned: Labeling Changes
and Large-Scale Notification (II)
• In assessing effectiveness of risk communication, desired
results MUST be clearly stated
– A fair degree of achieved success may not be seen as effective
enough to prevent market withdrawal
• Medical products differ in perceived benefit/risk
– Based on such factors as
• Disease entity/population treated
• Availability of other products
• Reversibility of AE(s) in question
each case merits individualized assessment, rather than
formulaic, “cookie-cutter” approach
sagcs 2005
Lessons Learned: Labeling Changes
and Large-Scale Notification (III)
• Understanding how HPs use risk information critical to
improvement in methods
– Examine varied information sources and related
factors impacting treatment behavior
• Optimum use of promising new communication
technologies (e.g., Internet; computerized pharmacy
systems) is global learning process
• Information overload/increasing time demands on HPs
MUST be acknowledged when planning/assessing risk
communication
sagcs 2005
Lessons Learned:
Information Provided
• Risk information intended for health professionals
should be as clinically oriented as possible
• FDA efforts such as generating/disseminating Q’s & A’s
based on latest safety information for particular medical
product of concern should be encouraged/modeled
– Specifically targeted for treating healthcare community
sagcs 2005
Lessons Learned:
Health Professional Education (I)
• Medical product safety/risk management education for
HPs should not be exclusively product-specific
• Goals should include
– Greater awareness of medical product-induced disease
• Recognition
• Management
• Reporting
– Enhanced knowledge/application of pharmacotherapy, and of
impact individual patient factors can have on pharmacotherapy
sagcs 2005
Lessons Learned:
Health Professional Education (II)
• Education efforts need to involve
– ALL levels and health professional disciplines
• Professional schools
• Training programs
• Post-graduate continuing education
• Based in care delivery setting (e.g., hospitals; clinics)
• MUST be ongoing
– One-shot programs not nearly enough
• No quick fix -- must be commitment of resources
– Partnerships/cooperation among stakeholders
sagcs 2005
Lessons Learned:
Risk Communication
• Need to be aware of social/psychological factors
that impact health risk information receipt and
perception
• Need for clarity and minimization of ambiguity/
possible sources of confusion
• Need to establish deserved trust in informational
sources
• Need to critically evaluate sources of risk
information
sagcs 2005
Conclusion
• Do these risk communication modalities result in desired
outcomes?
– Based on current knowledge/experience gained, answer of
“yes, but not in all circumstances, not every time, and not
always to the ideal extent” appears reasonable
• New methods/novel combinations need to be sought/
tested to minimize preventable AEs/use errors and
protect patients to greatest degree possible
sagcs 2005
New FDA Drug Safety Initiative
Drug Safety Board10
• Management of important drug safety issues
– Identification, tracking and oversight
– Adjudication of organizational disputes
– Establishment of policies
• Drug Watch
– Selection of drugs for placement
– Updating status (including removal) as appropriate
• Oversight of development of patient/professional
information sheets
10www.fda.gov/cder/mapp/4151-3.pdf
sagcs 2005
New FDA Drug Safety Initiative
Drug Safety Board10
• Tracking important emerging safety issues
– Ensure resolution in timely manner
• Ensure CDER decisions about drug’s safety benefit from
input/perspective of internal and external experts who
did not
– Conduct primary review, or
– Serve as deciding official in ongoing pre-market evaluation or
post-marketing activities with respect to drug
sagcs 2005
New FDA Drug Safety Initiative
Drug Watch Web Page11
• New communication channel proposed by FDA
– Inform public of latest information possible on emerging safety
issues, even before FDA fully determines significance of data
or decides whether regulatory action appropriate
– NOT intended to identify specific drugs as being particularly
risky
• Not yet active
– May 2005 draft guidance released explaining proposed Drug
Watch program in more detail
– FDA thus soliciting public input before implementation
11www.fda.gov/cder/drug/DrugSafety/drugSafetyQA.pdf
sagcs 2005
New FDA Drug Safety Initiative
Drug Watch Web Page11
• As proposed, emerging safety information would
become available to public
– Factual information about new potential side effects and/or
risks avoidable through such measures as appropriate patient
selection or adequate patient monitoring
• FDA preliminary review of emerging information to
determine which data warrants dissemination to public
while scientific evaluation by Agency continues
– Agency would work towards as quick a resolution of identified
safety issues as possible
– Status of FDA analyses of emerging information would be
posted
sagcs 2005
CDRH Safety Notification Program
• In 2002, CDRH added new form of notification to
existing program, Web Notifications12, for posting of
safety information on its website
– Intended to supplement other forms of notification
– Provide mechanism for quick dissemination of device safety
information of benefit to health professionals, but not
appropriate for other forms
– May be used when available information limited, changing,
and/or CDRH unable to make specific recommendations, but
timely provision to healthcare community desired
– Updated upon availability of further information
12www.fda.gov/cdrh/safety.html
sagcs 2005